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March 23, 2015

Monetary Policy Lessons and the Way Ahead

Remarks by
Stanley Fischer
Vice Chairman
Board of Governors of the Federal Reserve System
at the
Economic Club of New York
New York, New York

March 23, 2015

For over six years, the federal funds rate has, effectively, been zero. However it
is widely expected that the rate will lift off before the end of this year, as the
normalization of monetary policy gets underway.
The approach of liftoff reflects the significant progress we have made toward our
objectives of maximum employment and price stability. The extraordinary monetary
policy accommodation that the Federal Reserve has undertaken in response to the crisis
has contributed importantly to the economic recovery, though the recovery has taken
longer than we expected. The unemployment rate, at 5.5 percent in February, is nearing
estimates of its natural rate, and we expect that inflation will gradually rise toward the
Fed’s target of 2 percent. Beginning the normalization of policy will be a significant step
toward the restoration of the economy’s normal dynamics, allowing monetary policy to
respond to shocks without recourse to unconventional tools.
I would like to take this occasion to look back on some lessons learned during our
time at the effective lower bound on the interest rate, and also to look forward. 1
Monetary Policy since the Crisis
Let me first take a step back in time. Prior to the crisis, the financial system was
more fragile than we realized. Key vulnerabilities included excessive leverage,
overdependence on short-term funding, and deficiencies in credit ratings, underwriting
standards, and risk management. Importantly, interconnections across financial
institutions heightened the risk of contagion through cascading losses. Some of these
interconnections emerged from the use of complicated financial instruments that created
seemingly safe and liquid assets. At the time, it was common to say that risk was being
1

The views that I offer are my own and not necessarily those of any other member of the Federal Open
Market Committee or of the Committee itself.

-2dispersed and allocated to those best able to bear it. But rather than distributing risk
widely, these instruments concentrated risk on the balance sheets of a relatively small
number of highly levered financial institutions.
As a result, as the subprime crisis developed, market participants pulled back
from risk taking, leading to deleveraging spirals and fire sales. 2 The damage spread
across the globe. Following the collapse of Lehman Brothers on September 15,
international trade collapsed as panic and financial connections transmitted distress
across borders. 3 Of course, the economy’s vulnerabilities did not stem from the private
sector alone: in the public sector, gaps in the regulatory structure allowed important
financial institutions to escape comprehensive supervision, and regulators were
insufficiently focused on the stability of the system as a whole.
The Federal Reserve responded aggressively to the crisis. 4 By the end of 2008,
the Federal Open Market Committee (FOMC) had reduced the target federal funds rate
from 5-1/4 percent to, effectively, zero. The Fed also acted forcefully as the lender of
last resort--in its traditional role of providing short-term liquidity to depository

2

For a model in which fire sales can arise from uncertainty about the network of cross-exposures among
banks, see Caballero and Simsek (2013).
3
The fallout from the crisis was large even in countries that had not experienced an acute financial crisis.
As an example, in six Asian countries, including China and India, exports fell more than 30 percent by the
beginning of 2009, and industrial production declined about 10 percent. See the discussion of China, India,
Indonesia, Malaysia, Thailand, and Taiwan in Coulibaly, Sapriza, and Zlate (2011). Regarding the role of
credit conditions in the collapse of international trade, see Chor and Manova (2012).
4
A key trigger for the crisis was the decline in housing prices, which began in 2006 and led to uncertainty
about mortgage investments. In the summer of 2007, two large financial institutions--The Bear Stearns
Companies, Inc., and BNP Paribas Group--suspended redemptions from certain investment funds, perhaps
marking the beginning of the financial crisis. In 2008, the crisis intensified with the near collapse of Bear
Stearns in March and the bankruptcy of Lehman Brothers Holdings in September; a full-scale financial
panic ensued across much of the global financial system.

-3institutions, and also by providing liquidity directly to borrowers and investors in key
credit markets. 5
In addition, the worldwide scope of the crisis called for concerted international
action. Because of the global nature of dollar funding markets, the Fed authorized dollar
liquidity swap lines with major central banks, beginning in December 2007. In October
2008, central bankers coordinated reductions in policy rates and the Group of Seven
agreed to use all available tools to prevent the failure of systemically important financial
institutions. 6 The next month, the Group of Twenty announced a broad common
strategy, including fiscal expansion.
These steps likely prevented a second Great Depression, but they were not
sufficient to avoid a severe global contraction.
In the United States, with the federal funds rate at its effective lower bound by the
end of 2008, the FOMC judged that it could not provide much additional accommodation
via its conventional tool--reducing the federal funds rate. 7 Instead, the FOMC used two
unconventional tools: large-scale asset purchases and enhanced forward guidance. To
varying extents, foreign central banks have also been using these tools.

5

In our role as lender of last resort, we worked closely with the Treasury Department and the Federal
Deposit Insurance Corporation (FDIC). For example, to stem the run on money market funds, the Treasury
provided a temporary guarantee and the Fed created a backstop liquidity program. In addition, the FDIC
established the Temporary Liquidity Guarantee Program to guarantee certain unsecured liabilities of
depository institutions and some bank holding companies.
6
On October 8, 2008, the Federal Reserve and five other major central banks jointly announced a reduction
in policy interest rates. See Bank of Canada and others (2008).
7
A handful of central banks in Europe have recently set certain policy rates below zero. Specifically, the
Danmarks Nationalbank, the European Central Bank, the Sveriges Riksbank, and the Swiss National Bank
have set negative policy rates. In the United States, when the Federal Reserve sought to provide more
accommodation despite the federal funds rate being, essentially, zero, we chose not to use negative rates,
judging at the time that the small additional support for aggregate demand was not worth the accompanying
risks to U.S. money markets and the intermediation of credit.

-4The Fed’s asset purchases did not have the conventional aim of increasing reserve
balances to pull down short-term rates. 8 Rather, purchases of longer-term securities
lowered longer-term yields through portfolio balance effects.
The evolution of our asset purchases reflected a learning process for
policymakers. In the early programs, the FOMC specified the expected quantities of
assets to be acquired over a defined period. In contrast, with QE3 (the most recent round
of quantitative easing, implemented from September 2012 to October 2014), the FOMC
announced that we would continue to purchase securities at a certain monthly pace until
the outlook for the labor market improved substantially in a context of price stability.
Later, the FOMC noted that the pace of purchases was also data dependent, allowing the
pace to be revised based on its assessment of progress toward its long-run objectives.
With the federal funds rate near zero and the Fed creating and adjusting new asset
purchase programs, it became difficult for the public to anticipate how the FOMC would
likely conduct monetary policy and respond to changing economic conditions. Thus, the
FOMC began to rely heavily on enhanced forward guidance to communicate its
intentions. Forward guidance works in part because it also constrains the flexibility of
decisionmakers when the time comes to make their future decisions. 9

8

Indeed, the maturity extension program--also known as Operation Twist--did not increase reserves at all.
There is a long literature in monetary economics about time inconsistency. Time inconsistency is the
notion that, to achieve good outcomes, a central bank may need to make commitments about how it will act
in the future--commitments that must be credible but that, ex post, the central bank might find hard to
follow through on. For canonical papers, see Kydland and Prescott (1977) and Lucas and Stokey (1983);
see also Fischer (1980). The early literature focused on the inability of central banks, in normal times, to
commit to high future interest rates and low inflation. Interestingly, at the zero lower bound, central banks
may face nearly the opposite commitment problem: To escape a liquidity trap, a central bank may want to
commit to keep interest rates low and accommodate an output boom even after the headwinds from a crisis
have dissipated. See, for example, Eggertsson (2006) and Werning (2012). For additional discussion of
Federal Reserve communications, see Yellen (2012) and Stein (2014).

9

-5Nonetheless, a number of potential costs might be associated with unconventional
tools. When interest rates are extremely low, risks to financial stability might grow. In
addition, elevated securities holdings could reduce the Fed’s income and remittances to
the U.S. Treasury when rates eventually rise. 10
Further, the Fed’s quantitative easing appeared significantly to affect foreign asset
markets, and to have contributed to a surge of capital inflows to emerging-market
economies (EMEs). 11 Our asset purchase programs were even called a “currency war.”
However, eventually, most EMEs seemed glad to receive those flows. Interestingly, the
asset purchases recently announced by the European Central Bank (ECB) appear to be
putting downward pressure on longer-term interest rates in the United States. In addition,
the ECB’s policy should increase growth in Europe, which will be beneficial for U.S.
exports. Although some of these benefits may be offset by the recent appreciation of the
dollar, much of that increase likely reflects other factors including the relatively strong
performance of the U.S. economy.
Looking back, there is ample evidence that supports the view that the Fed’s asset
purchases contributed to a stronger U.S. recovery, by raising the prices of the assets
purchased and close substitutes, as well as those of riskier assets. 12 Our experience also

10

For a discussion of the Federal Reserve’s remittances, see Yellen (2013). Though it is likely that
remittances to the Treasury will decline later in the decade as interest rates increase, such developments
would not impair the Federal Reserve’s conduct of monetary policy, and it is highly likely that average
annual remittances over the period affected by our asset purchases will be higher than pre-crisis norms. In
addition, the asset purchases also affect Treasury revenue by lifting economic activity and thereby tax
revenue, as well as by lowering interest rates and thereby debt service costs.
11
Regarding the effects on foreign asset markets, see Neely (2011); Fratzscher, Lo Duca, and Straub
(2013); and Rogers, Scotti, and Wright (2014). Regarding the effects on EMEs, it appears that both
conventional and unconventional policies in the United States--among other factors--have driven capital
flows into EMEs. See, for example, Ahmed and Zlate (2014) and Bowman, Londono, and Sapriza (2014).
12
See, for example, D’Amico and King (2013); Gagnon and others (2011); Gilchrist, López-Salido, and
Zakrajšek (2014); and Hamilton and Wu (2012).

-6shows that forward guidance helped better align market expectations of Fed policy with
the Committee’s policy intentions. 13 In brief, unconventional policies helped bring down
long-term yields both by reducing term premia and by lowering the expected path of
future short-term rates.
The Recovery from the Financial Crisis
Despite monetary stimulus, the recovery from the financial crisis has been even
more sluggish than we had expected. The slow recovery provides more evidence that
severe financial crises have long-lived effects, as Reinhart and Rogoff, and others, have
documented. 14
The gradual pace of the recovery has likely reflected both demand and supply
factors. With respect to aggregate demand, the economy faced several important
headwinds: efforts by households and businesses to rebuild their balance sheets,
persistently tight credit conditions, the extreme weakness of the housing sector, the
significant drag from fiscal policy in the years from 2011 to 2013, and the growth
slowdown in Europe and other parts of the world.
Turning to aggregate supply, it appears that productivity growth has slowed. 15
One notable manifestation of slow productivity growth is that last year, unemployment
fell significantly further than we had anticipated as of the start of the year--a pattern that
occurred in the prior four years as well--whereas gross domestic product growth fell short
of our expectations, as it had in three of the four prior years. However, productivity is

13

See, for example, Yellen (2011).
See Cerra and Saxena (2008); Reinhart and Rogoff (2009); Schularick and Taylor (2012); Bordo and
Haubrich (2012); and Howard, Martin, and Wilson (2011).
15
The slowdown in productivity growth may predate the recession and may have been exacerbated by it.
See Reifschneider, Wascher, and Wilcox (2013) and Fernald (2014).
14

-7extremely difficult to predict. For my part, I believe that the enormous gains in human
welfare that the information technology explosion seems to be generating are likely to
continue, and will perhaps eventually return measured productivity growth to its long-run
historical pace.
Conditions for Liftoff
Although the recovery has been slow, there has been significant cumulative
progress. An increase in the target federal funds range likely will be warranted before the
end of the year. Liftoff should occur when the expected return from raising the interest
rate outweighs the expected costs of doing so. In deciding when that time has come, we
will continue to monitor a wide range of information regarding labor market conditions,
inflation, and financial and international developments. We anticipate that it will be
appropriate to raise the target range when there has been further improvement in the labor
market and we are reasonably confident that inflation will move back to our 2 percent
objective over the medium term.
Policy Normalization
Full normalization of monetary policy would allow the Fed to rely on its
traditional policy framework of adjustments to the federal funds rate. However, as long
as our balance sheet remains sizable, we will not be able to implement monetary policy
with our traditional tool of repurchases. It is important that, when we change the rate for
the first time in a long time, we are certain that we have the operational tools to control
the federal funds rate—and, accordingly, we have developed and tested new operational
tools to control the federal funds rate.

-8As discussed in the FOMC's statement titled Policy Normalization Principles and
Plans, which was published following the September 2014 FOMC meeting, we will use
the rate of interest on excess reserves (IOER) as our primary tool to control the federal
funds rate. 16 We also plan to use an overnight reverse repurchase agreement (ON RRP)
facility, as needed. In an ON RRP operation, counterparties may invest funds with the
Fed at a given rate, possibly subject to a cap on the aggregate amount invested. Because
ON RRP counterparties include many money market participants that are not eligible to
receive IOER, the facility can be a powerful tool for controlling money market interest
rates. Indeed, testing to date by the New York Fed suggests that ON RRP operations
have generally established a soft floor for such rates. 17
However, an ON RRP program also has certain risks. For example, a large and
persistent program could have unanticipated and adverse effects on the structure of
money markets. In addition, in times of stress, demand for the safety and liquidity of ON
RRPs with the central bank might increase sharply, potentially exacerbating disruptive
flight-to-quality flows. 18 To mitigate these risks, the FOMC has agreed that it will use an
ON RRP facility only to the extent necessary and will phase it out when it is no longer
needed.
In addition, the Fed has been discussing and testing other supplementary tools,
such as term reverse repurchase agreements and term deposits, and can use these tools as
needed to help support money market rates.
16

See Board of Governors (2014a).
Policymakers have discussed the benefits and costs of an ON RRP facility. For further discussion on this
topic, see, for example, the FOMC minutes for June 2014, July 2014, and January 2015; see Board of
Governors (2014b, 2014c, 2015).
18
See Frost and others (2015). As the authors note, an ON RRP facility can also potentially contribute to
financial stability by crowding out risky short-term borrowing by financial institutions and businesses.
17

-9With regard to balance sheet normalization, the FOMC has indicated that it does
not anticipate selling agency mortgage-backed securities. When the time comes, we plan
to normalize the balance sheet primarily by ceasing reinvestment of principal payments
on existing holdings. When the FOMC chooses to cease reinvestments, the balance sheet
will naturally contract, with a corresponding reduction in reserve balances. This runoff
of our securities holdings will also gradually remove accommodation, an effect that we
will need to take into account in setting the stance of policy.
During normalization, we will, no doubt, learn more about our different tools and
make adjustments to our operating framework. In part because of this adaptability, I am
confident that by using IOER and, as needed, these supplementary tools, we will be able
to raise short-term interest rates when it becomes appropriate.
Monetary Policy after Liftoff
The focus of the great bulk of the discussion on monetary policy during the last
few years, has been on liftoff--on the circumstances under which the FOMC will choose
to raise the federal funds rate, on the date on which that will happen, and on the effect of
the Fed’s very large portfolio on how it will manage the liftoff process. Those questions
are natural after more than six years during which the federal funds rate has been held at
its effective lower bound.
But as liftoff approaches, we need to think also about what will happen next. For
liftoff is only the start of the process of normalization, and, going forward, the FOMC
will once again be changing the federal funds rate as necessary, both up and down.
Accordingly, discussion of monetary policy needs to begin to shift to the future path of

- 10 interest rates, and thus to the basis on which the FOMC will set interest rates following
liftoff.
There has been a lively discussion of one element of the future path of the federal
funds rate: whether liftoff should be sooner with a gradual rise in the rate, or whether
liftoff should occur later and be followed by a steeper path of the rate. 19 These
discussions are useful when considering the appropriate timing of the first increase in the
federal funds rate. But what comes after the first increase? Standard interest rate
projections might incline one to believe that the path of the federal funds rate after liftoff
will consist of a steady rate of increase from zero to the longer-run normal nominal
federal funds rate, which will be equal to the natural real rate of interest plus our 2
percent inflation goal. One might even look back to the period from 2004 to 2007 and
conclude that the FOMC will raise the federal funds rate by 25 basis points every
meeting, or every second meeting, or every third meeting, depending on the date of
liftoff.
I know of no plans for the FOMC to behave that way. Why not? Isn’t that what
the calculation of optimal control paths shows? Yes. But a smooth path upward in the
federal funds rate will almost certainly not be realized, because, inevitably, the economy
will encounter shocks--shocks like the unexpected decline in the price of oil, or
geopolitical developments that may have major budgetary and confidence implications,
or a burst of greater productivity growth, as the Fed dealt with in the mid-1990s.

19

For a discussion of the tradeoffs between the risks that would be associated with departing either earlier
or later from the effective lower bound, see, for example, the FOMC minutes for January 2015; see Board
of Governors (2015).

- 11 When shocks happen, as they do, policymakers will have to respond to at least
some of them. Accordingly there is considerable uncertainty about the level of future
interest rates--a degree of uncertainty that can be estimated statistically, and that should
be taken into account by market participants and recognized by the FOMC when it
discusses future levels of interest rates. The uncertainty about future levels of the federal
funds rate can be represented in a “fan chart”--that is, a figure showing the expected path
of the federal funds rate as well as a range representing the degree of uncertainty around
that path. 20
The two sure elements of forward guidance that the FOMC will be able to offer
after liftoff are that monetary policy will continue to be aimed at fostering the
Committee’s dual objectives, and that it will be data driven. As we move away from the
zero lower bound, the data to which we will be responding will be driven less and less by
the financial crisis and Great Recession, and increasingly by post-liftoff economic
developments. Whatever the state of the economy, the federal funds rate will be set at
each FOMC meeting on the basis of what the members of the FOMC believe will best
enable us to meet our dual goals of maximum employment and price stability over the
course of time.
As the FOMC responds to incoming information, it will continue to be absolutely
transparent in explaining its decisions and how and why they contribute to meeting the
legally mandated dual goals of monetary policy. That transparency serves three
purposes: First, it is required if we are to be accountable to the public; second, it is the
20

For example, the Sveriges Riksbank publishes a fan chart that displays a forecast for its policy repurchase
agreement (or repo) rate, along with uncertainty bands based on historical forecast errors, showing the
ranges in which the repo rate is forecast to fall with 50 percent, 75 percent, and 90 percent confidence. For
the chart, see Sveriges Riksbank (2015).

- 12 best way of ensuring that monetary policy decisionmakers continue to follow sensible
and rational policies; and third, it is the best way of informing the private sector of the
basis on which monetary policy decisions are made and will continue to be made.
With respect to forward guidance: its role has been and continues to be important
in the long period in which eventual liftoff has been the key interest rate decision
confronting the FOMC and the focus of market expectations. However, as monetary
policy is normalized, interest rates will sometimes have to be increased, and sometimes
decreased. Market participants will be able to form their expectations of future interest
rates on the basis of three elements: first, the policy record of the FOMC, which might be
approximated as a reaction function; second, their analysis of the current economic and
financial situation and outlook; and, third, whatever guidance the FOMC will provide as
to how it sees monetary policy decisions likely to unfold given the economic situation
and outlook. It is likely that explicit long-term forward guidance will play less of a role
in monetary policy after liftoff than it has during the past few years.
Policymakers’ behavior is sometimes summarized as a reaction function, which
can be an algebraic description of how the interest rate is set--for instance, a Taylor-type
rule in which the federal funds rate reacts simultaneously to the rate of inflation and
expectations of inflation as well as to the rate of unemployment and expected changes in
the level of unemployment. 21 However, a simple rule of that sort will, by necessity, leave
out many factors that appropriately influence monetary policy, such as financial
developments, temporary divergences in relationships between different measures of

21

Svensson (1997) notes that the reaction function might take the form of a “targeting rule” expressing how
the policymaker’s target variables are expected to move over time. Bernanke (2010) discusses the practical
importance of targeting forecast, as opposed to realized, variables.

- 13 economic activity or inflation, and the like. A simple rule can provide the starting point
for the decisions made by the FOMC, but in reaching their interest rate decision,
members of the Committee will always have to use their judgment to identify the special
circumstances confronting the economy, and how to react to them.
To ensure that monetary policy operates in as stabilizing a way as possible, the
FOMC will continue to set out, as clearly as it can, the basis of every decision that it
makes, and to provide guidance on its expectations of future decisions. And on the basis
of the information provided by the FOMC, of their understanding of the historical record
of Fed policy decisions, and of their analysis and expectations of the state of the economy
and, particularly, the financial markets, market participants will make the best decisions
they can.

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